MEHRAN ASSOCIATES LIMITED versus COMMISSIONER OF INCOME-TAX, KARACHI
Sections 3, 4, 4A (ii) (ii) and (iii) and 4B (a) Constitution of Pakistan (1962), Arts 223 and 240 Residential General Assessment of Income from Income Taxable and Immovable Areas Assistive Appellant He was a partner in a Karachi business firm from which he retired and started his own business in the state of Swat where he was allegedly accepted as a State Citizen Assisi in which he taxed his income from the state of Swat. Claimed to be exempt. It was a part of the tribal area where the Income Tax Act, 1922, because of Article 223 (1962) of the Constitution, was not extended and on the other hand, he was not a resident of the Pakistan Assessing Officer, on the other hand, it was found on the evidence. Had gone That Assisi was looking after a residential house in Karachi which he had purchased in the name of his wife and where he had telephoned in his name and that during the previous years, the assessee was a taxable area of Pakistan. I've been r Moore
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